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  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
  • BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST vs MATTIE PEARL WILLIAMS document preview
						
                                

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Filing # 176934747 E-Filed 07/07/2023 02:55:32 PM IN THE CIRCUIT COURT OF THE FOURTH JUDICIAL CIRCUIT, IN AND FOR DUVAL COUNTY, FLORIDA. CASE No. 162022CA005634XXXXMA BANK OF NEW YORK MELLON TRUST COMPANY, N.A. AS TRUSTEE FOR MORTGAGE ASSETS MANAGEMENT SERIES I TRUST, PLAINTIFF, VS. MATTIE PEARL WILLIAMS, ET AL. DEFENDANT(S). _____________________________________/ MOTION FOR ADDITIONAL COSTS AND INTEREST Plaintiff moves this Court for additional costs and interest incurred since the date of the Final Judgment, and in support of its Motion states: 1. Additional costs have been expended by, or on behalf of, Plaintiff since the date of the Final Judgment of Foreclosure. 2. Interest on the total judgment debt has accrued since the date of the Final Judgment of Foreclosure to the date of the foreclosure sale at the prevailing legal rate of interest. 3. Plaintiff incorporates in this Motion an Affidavit of Additional Costs and Interest. WHEREFORE Plaintiff respectfully requests that this Court enter an order awarding Our File #: 22-001230\XXXXXX0974\162022CA005634XXXXMA\PHH ACCEPTED: DUVAL COUNTY, JODY PHILLIPS, CLERK, 07/11/2023 02:42:47 PM additional costs and interest. Tromberg, Morris & Poulin, PLLC Attorney for Plaintiff 1515 South Federal Highway, Suite 100 Boca Raton, FL 33432 Telephone #: 561-338-4101 Fax #: 561-338-4077 Email: eservice@tmppllc.com Secondary Email: e-mail@tmppllc.com By: Stephen Weinstein, Esq. FBN: 740896 CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of the foregoing has been furnished by United States mail on 7.7.2023 or electronic mail on 7.7.2023 to the following parties: MATTIE PEARL WILLIAMS 4043 Marland Street Jacksonville, FL 32209 RIVER CITY ROOFING CORP. c/o Chad D. Bell, Registered Agent 5018 Spring Park Road Jacksonville, FL 32207 Our File #: 22-001230\XXXXXX0974\162022CA005634XXXXMA\PHH John F. Rudy, III, Esq. 400 N. Tampa Street, Suite 3200 Tampa, FL 33602 USAFLM.HUD@usdoj.gov DOJMDFla@hud.gov Stephen Weinstein, Esq. FBN: 740896 Our File #: 22-001230\XXXXXX0974\162022CA005634XXXXMA\PHH